SUPREME COURT OF INDIA

 

Commissioner of Income Tax


Vs.

Krupp Industries India Ltd.

 

C.A.No.4424 of 1999

 

(B.N.Kirpal and S.Rajendra Babu JJ.)

 

09.08.1999

 

ORDER

 

The Text below is only a summarized version of the order pronounced

 

Dispute was whether payment on account of technical know-how is allowable deduction as it was revenue expenditure. Supreme Court directed Tribunal to refer question to High Curt as it was a question of law.